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(Lafayette Hill, Pennsylvania – 10/21/08) - Philip J. Berg, Esquire, the Attorney who filed suit against Barack H. Obama challenging Senator Obama’s lack of “qualifications” to serve as President of the United States, announced today that Obama and tbe DNC “ADMITTED”, by way of failure to timely respond to Requests for Admissions, all of the numerous specific requests in the Federal lawsuit. Obama is “NOT QUALIFIED” to be President and therefore Obama must immediately withdraw his candidacy for President and the DNC shall substitute a qualified candidate. The case is Berg v. Obama, No. 08-cv-04083.
Berg stated that he filed Requests for Admissions on September 15, 2008 with a response by way of answer or objection had to be served within thirty [30] days. No response to the Requests for Admissions was served by way of response or objection. Thus, all of the Admissions directed to Obama and the DNC are deemed “ADMITTED.” Therefore, Obama must immediately withdraw his candidacy for President.
OBAMA - Admitted:
1. I was born in Kenya.
2. I am a Kenya “natural born” citizen.
3. My foreign birth was registered in the State of Hawaii.
4. My father, Barrack Hussein Obama, Sr. admitted Paternity of me.
5. My mother gave birth to me in Mombosa, Kenya.
6. My mother’s maiden name is Stanley Ann Dunham a/k/a Ann Dunham.
7. The COLB [Certification of Live Birth] posted on the website “Fightthesmears.com” is a forgery.
8. I was adopted by a Foreign Citizen.
9. I was adopted by Lolo Soetoro, M.A. a citizen of Indonesia.
10. I was not born in Hawaii.
11. I was not born at the Queens Medical Center in Hawaii.
12. I was not born at Kapi’olani Medical Center for Women and Children in Hawaii.
13. I was not born in a Hospital in Hawaii.
14. I am a citizen of Indonesia.
15. I never took the “Oath of Allegiance” to regain my U.S. Citizenship status.
16. I am not a “natural born” United States citizen.
17. My date of birth is August 4, 1961.
18. I traveled to Pakistan in 1981 with my Pakistan friends.
19. In 1981, I went to Indonesia on my way to Pakistan.
20. Pakistan was a no travel zone in 1981 for American Citizens.
21. In 1981, Pakistan was not allowing American Citizens to enter their country.
22. I traveled on my Indonesian Passport to Pakistan.
23. I renewed my Indonesian Passport on my way to Pakistan.
24. My senior campaign staff is aware I am not a “natural born” United States Citizen.
25. I am proud of my Kenya Heritage.
26. My relatives have requested changes to the portion of my birth certificate that identifies my first name.
27. My relatives have requested changes to the portion of my birth certificate that identifies my last name.
28. My relatives have requested changes to the portion of my birth certificate that identifies my place of birth.
29. I requested changes to the portion of my birth certificate that identifies my first name.
30. I requested changes to the portion of my birth certificate that identifies my last name.
31. I requested changes to the portion of my birth certificate that identifies my place of birth.
32. The document identified as my Indonesian School record from Fransiskus Assisi School in Jakarta, Indonesia is genuine.
33. I went to a Judge in Hawaii to have my name changed.
34. I went to a Senator and/or Congressman or other public official in Hawaii to have my name changed.
35. I had a passport issued to me from the Government of Indonesia.
36. The United States Constitution does not allow for a Person to hold the office of President of the United States unless that person is a “natural born” United States citizen.
37. I am ineligible pursuant to the United States Constitution to serve as President and/or Vice President of the United States.
38. I never renounced my citizenship as it relates to my citizenship to the country of Indonesia.
39. I never renounced my citizenship as it relates to my citizenship to the country of Kenya.
40. I am an Attorney who specializes in Constitutional Law.
41. Kenya was a part of the British Colonies at the time of my birth.
42. Kenya did not become its own Republic until 1963.
43. I am not a “Naturalized” United States Citizen.
44. I obtained $200 Million dollars in campaign funds by fraudulent means.
45. I cannot produce a “vault” (original) long version of a birth certificate showing my birth in Hawaii.
46. My “vault” (original) long version birth certificate shows my birth in Kenya.
47. The only times I was to a Hospital in Hawaii was for check-ups or medical treatments for illnesses.
48. Queens Medical Center in Honolulu, Hawaii does not have any record of my mother, Stanley Ann Dunham (Obama) giving birth to me.
49. Kapi’olani Medical Center for Women and Children in Honolulu, Hawaii does not have any record of my mother, Stanley Ann Dunham (Obama) giving birth to me.
50. I was born in the Coast Province Hospital in Mombasa, Kenya.
51. I represented on my State Bar application in Illinois that I never used any other name other than Barack Hussein Obama.
52. I went by the name Barry Soetoro in Indonesia.
53. My Indonesian school records are under the name of Barry Soetoro.
54. I took an Oath to uphold the United States Constitution when admitted to the State Bar of Illinois to practice Law.
55. I took an Oath to uphold the United States Constitution when I was Sworn into my United States Senate Office.
56. I hold dual citizenship with at least one other Country besides the United States of America.
DNC - Admitted:
1. The DNC nominated Barrack Hussein Obama as the Democratic Nominee for President.
2. The DNC has not vetted Barrack Hussein Obama.
3. The DNC did not have a background check performed on Barrack Hussein Obama.
4.The DNC did not verify Barrack Hussein Obama’s eligibility to serve as President of the United States.
5. The DNC admits Barrack Hussein Obama was born in Kenya.
6. The DNC admits Barrack Hussein Obama is not a “natural born” United States citizen.
7. The DNC admits Barrack Hussein Obama was not born in Hawaii.
8.The DNC admits they have not inquired into Barrack Hussein Obama’s citizenship status.
9. The DNC admits they have a duty to properly vette the Democratic Nominee for President.
10.The DNC admits Lolo Soetoro, M.A., an Indonesian citizen adopted Barrack Hussein Obama.
11. The DNC admits the Credentials Committee has been aware of this lawsuit since August 22, 2008 as the lawsuit was faxed to our Washington D.C. Office on August 22, 2008.
12. The DNC admits their Credentials Committee failed to verify and/or inquire into the credentials of Barack Hussein Obama to serve as the President of the United States.
13. The DNC admits their Credential Committee’s Report failed to address the issues of Barack Hussein Obama’s ineligibility to serve as President of the United States.
14.The DNC admits Howard Dean, Chair Person has and had knowledge Barack Hussein Obama was born in Kenya and ineligible to serve as the President of the United States.
15. The DNC admits Plaintiff and all Democratic citizens of the United States have been personally injured as a result of not having a qualified Democratic Presidential Nominee to cast their votes upon.
16. The DNC admits Plaintiff and all citizens of the United States have a Constitutional Right to vote for the President of the United States and to have two (2) qualified candidates of which to choose from.
17. The DNC admits Plaintiff and all citizens of the United States have a Constitutional right to have a properly vetted Democratic Presidential Nominee of which to cast their vote.
18. The DNC admits an FBI background check is not performed on the Presidential or Vice Presidential Candidates.
19. The DNC admits the United States Constitution does not allow for a Person to hold the office of President of the United States unless that person is a “natural born” United States citizen.
20. The DNC admits they collected donations on behalf of Barack Hussein Obama for his Presidential campaign.
21. The DNC admits Plaintiff and Democratic citizens donated money based on false representations that Barack Hussein Obama was qualified to serve as the President of the United States.
22. The DNC admits if Barack Hussein Obama is elected as President and allowed to serve as President of the United States in violation of our Constitution, it will create a Constitutional crisis.
23. The DNC admits Barack Hussein Obama took an Oath to uphold the United States Constitution.
24. The DNC admits allowing a person who is not a “natural born” citizen to serve as President of the United States violates Plaintiff’s rights to due process of law in violation of the United States Constitution.
25. The DNC admits allowing a person who is not a “natural born” citizen to serve as President of the United States violates Plaintiff’s rights to Equal Protection of the laws in violation of the United States Constitution.
26. The DNC admits the function of the DNC is to secure a Democratic Presidential Candidate who will protect Democratic citizen’s interests, fight for their equal opportunities and fight for justice for all Americans.
27. The DNC admits the Democratic National Committee has been promoting Barack Hussein Obama’s Presidential election knowing he was ineligible to serve as President of the United States.
Our website obamacrimes.com now has 50.7 + million hits. We are urging all to spread the word of our website – and forward to your local newspapers, radio and TV stations. Berg again stressed his position regarding the urgency of this case as, “we” the people, are heading to a “Constitutional Crisis” if this case is not resolved forthwith.
Philip J. Berg, Esquire
555 Andorra Glen Court, Suite 12
Lafayette Hill, PA 19444-2531
Cell (610) 662-3005
(610) 825-3134
(800) 993-PHIL [7445]
Fax (610) 834-7659
philjberg@obamacrimes.com